Prevailing research in market microstructure posits that liquidity providers bypass queue lines on exchanges by offering liquidity in dark venues with de minimis sub-penny price improvement, thus exploiting an exception to the penny quote rule. We show that(a) the SEC enforces the quote rule to prevent sub-penny queuejumping in dark pools unless trades are “pegged” to the NBBO midpoint and (b) the documented increase in dark trading due to investor queue-jumping stems from increased midpoint trading. Although encouraging pegged midpoint orders can subject traders to direct feed arbitrage, we estimate that less than 2% of shares traded per year present exploitable trading opportunities for this form of latency arbitrage, yielding annual gross potential profits of less than $20 million.
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13 December 2019
Research Article|
December 13 2019
Dark Trading at the Midpoint: Does SEC Enforcement Policy Encourage Direct Feed Arbitrage? Available to Purchase
Robert P. Bartlett, III;
Robert P. Bartlett, III
University of California
, 890 Simon Hall, UC Berkeley, Berkeley CA 94720, USA
; Tel: 510-542-6646
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Justin McCrary
Justin McCrary
University of California
, Berkeley, Columbia University, NBER, 521 Jerome Greene Hall, Columbia University, New York, NY 10027, USA
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Online ISSN: 2380-5013
Print ISSN: 2380-5005
© 2019 R. P. Bartlett and J. McCrary
2019
R. P. Bartlett and J. McCrary
Licensed re-use rights only
Journal of Law, Finance and Accounting (2019) 4 (2): 291–342.
Citation
Bartlett RP, McCrary J (2019), "Dark Trading at the Midpoint: Does SEC Enforcement Policy Encourage Direct Feed Arbitrage?". Journal of Law, Finance and Accounting, Vol. 4 No. 2 pp. 291–342, doi: https://doi.org/10.1561/108.00000039
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